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SLR Consulting (South Africa) (Pty) Ltd
Johannesburg 2060
Tel 0114670945
Fax 0114670978
A PHASE I HERITAGE IMPACT ASSESSMENT STUDY FOR THE
PROPOSED EXPANSION OF ENVIROSERV’S EXISTING
CHLOORKOP LANDFILL SITE (CLS) ONTO ADJACENT PROPERTIES
IN MIDRAND, GAUTENG PROVINCE
Prepared by:
Dr Julius CC Pistorius
Archaeologist & Heritage Consultant
Member ASAPA
8 5th Avenue Cashan x 1
Rustenburg 0299
PO Box 1522 Bela Bela 0480
Cell 0825545449
April 2019
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ACRONYMS AND ABBREVIATIONS
AIA Archaeological Impact Assessment
ASAPA Association of South African Professional Archaeologists
CRM Cultural Resource Management
EAP Environmental Assessment Practitioner
ECO Environmental Control Officer
EIA Environmental Impact Assessment
EMP Environmental Management Plan
EPS Environmental Performance Standards
EIA Early Iron Age
ESA Early Stone Age
GPS Global Positioning System
HIA Heritage Impact Assessment
IEM Integrated Environmental Management
I & Aps Interested and Affected Parties
LIA Late Iron Age
LSA Late Stone Age
MIA Middle Iron Age
MSA Middle Stone Age
NEMA National Environmental Management Act, 107 of 1998
NEMBA National Environmental Management: Biodiversity Act, 10 of 2004
NEMAQA National Environmental Management: Air Quality Act, 39 of 2004
NEMWA National Environmental Management: Waste Act, 59 of 2008
NHRA National Heritage Resources Act, 25 of 1999
NWA National Water Act, 36 of 1998
OSHA Occupational Health and Safety Act, 85 of 1993
PHRA Provincial Heritage Resource Agency
RSA Republic of South Africa
SAHRA South African Heritage Resources Agency
SAHRIS South African Heritage Resources Information System
ToR Terms of Reference
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TERMINOLOGY
Terms that may be used in this report are briefly outlined below:
• Conservation: The act of maintaining all or part of a resource (whether
renewable or non-renewable) in its present condition in order to provide for its
continued or future use. Conservation includes sustainable use, protection,
maintenance, rehabilitation, restoration and enhancement of the natural and
cultural environment.
• Cultural resource management: A process that consists of a range of
interventions and provides a framework for informed and value-based
decision-making. It integrates professional, technical and administrative
functions and interventions that impact on cultural resources. Activities include
planning, policy development, monitoring and assessment, auditing,
implementation, maintenance, communication, and many others. All these
activities are (or will be) based on sound research.
• Cultural resources: A broad, generic term covering any physical, natural and
spiritual properties and features adapted, used and created by humans in the
past and present. Cultural resources are the result of continuing human
cultural activity and embody a range of community values and meanings.
These resources are non-renewable and finite. Cultural resources include
traditional systems of cultural practice, belief or social interaction. They can
be, but are not necessarily identified with defined locations.
• Heritage resources: The various natural and cultural assets that collectively
form the heritage. These assets are also known as cultural and natural
resources. Heritage resources (cultural resources) include all human-made
phenomena and intangible products that are the result of the human mind.
Natural, technological or industrial features may also be part of heritage
resources, as places that have made an outstanding contribution to the cultures,
traditions and lifestyles of the people or groups of people of South Africa.
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• In-Situ Conservation: The conservation and maintenance of ecosystems,
natural habitats and cultural resources in their natural and original
surroundings.
• Iron Age: Refers to the last two millennia and ‘Early Iron Age’ to the first
thousand years AD. ‘Late Iron Age' refers to the period between the 16th century
and the 19th century and can therefore include the Historical Period.
• Maintenance: Keeping something in good health or repair.
• Pre-historical: Refers to the time before any historical documents were written or
any written language developed in a particular area or region of the world. The
historical period and historical remains refer, for the Project Area, to the first
appearance or use of ‘modern’ Western writing brought to the Eastern Highveld
by the first Colonists who settled here from the 1840’s onwards.
• Preservation: Conservation activities that consolidate and maintain the
existing form, material and integrity of a cultural resource.
• Recent past: Refers to the 20th century. Remains from this period are not
necessarily older than sixty years and therefore may not qualify as
archaeological or historical remains. Some of these remains, however, may be
close to sixty years of age and may, in the near future, qualify as heritage
resources.
• Protected area: A geographically defined area designated and managed to
achieve specific conservation objectives. Protected areas are dedicated
primarily to the protection and enjoyment of natural or cultural heritage, to the
maintenance of biodiversity, and to the maintenance of life-support systems.
Various types of protected areas occur in South Africa.
• Reconstruction: Re-erecting a structure on its original site using original
components.
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• Replication: The act or process of reproducing by new construction the exact
form and detail of a vanished building, structure, object, or a part thereof, as it
appeared at a specific period.
• Restoration: Returning the existing fabric of a place to a known earlier state
by removing additions or by reassembling existing components.
• Stone Age: Refers to the prehistoric past, although Late Stone Age people lived
in South Africa well into the Historical Period. The Stone Age is divided into an
Earlier Stone Age (3 million years to 150 000 thousand years ago) the Middle
Stone Age (150 000 years to 40 000 years ago) and the Late Stone Age (40 000
years to 200 years ago).
• Sustainability: The ability of an activity to continue indefinitely, at current and
projected levels, without depleting social, financial, physical and other
resources required to produce the expected benefits.
• Translocation: Dismantling a structure and re-erecting it on a new site using
original components.
• Project Area: refers to the area (footprint) where the developer wants to focus its
development activities.
• Phase I studies refer to surveys using various sources of data in order to
establish the presence of all possible types and ranges of heritage resources in
any given Project Area (excluding paleontological remains as these studies are
done by registered and accredited palaeontologists).
• Phase II studies include in-depth cultural heritage studies such as
archaeological mapping, excavating and sometimes laboratory work. Phase II
work may include the documenting of rock art, engraving or historical sites
and dwellings; the sampling of archaeological sites or shipwrecks; extended
excavations of archaeological sites; the exhumation of human remains and
the relocation of graveyards, etc. Phase II work involves permitting processes,
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requires the input of different specialists and the co-operation and approval of
the SAHRA.
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EXECUTIVE SUMMARY
A Phase I Heritage Impact Assessment (HIA) study as required in terms of Section 38 of the
National Heritage Resources Act (No 25 of 1999) was done for the proposed expansion of
EnviroServ’s Chloorkop Landfill Site (CLS) Project in Midrand in the Gauteng Province. The
implementation of the proposed Chloorkop Landfill Site Project is hereafter referred to as the
Chloorkop Landfill Site Project whilst the area to be affected by the proposed development s
referred to as the Project Area.
The aims with the Phase I HIA study were the following:
• To establish whether any of the types and ranges of heritage resources as outlined in
Section 38 of the National Heritage Resources Act (No 25 of 1999) do occur in the
Project Area.
• To establish the significance of the heritage resources in the Project Area and the level
of significance of any possible impact on any of these heritage resources.
• To propose mitigation measures for those types and ranges of heritage resources that
may be affected by the proposed Chloorkop Landfill Site.
The Phase I HIA study for the proposed expansion of the Chloorkop Landfill Site Project did
not reveal the presence of any of the types and ranges of heritage resources as outlined in
Section 3 of the National Heritage Resources Act (No 25 of 1999) in the Project Area.
As a result it is considered unlikely that the development or operation of the Chloorkop
Landfill Site would have any impact on a heritage resource. There is consequently no reason
from a heritage point of view why the proposed Chloorkop Landfill Site Project cannot
proceed if the recommended chance find procures are implemented should any chance finds
of heritage resources occur. This applies to implementing only Phase 1a (Erf 335) or Phase
1b (Erf 334) or both phases comprising Erf 335 and Erf 334.
The location of the Chloorkop Landfill Site Project within an existing industrial hub together
with factors such as the general characteristics of the Project Area, the critical need for
economic development in the country and recommended mitigation and management
measures should heritage resources be exposed during the construction, operation or closure
of the Chloorkop Landfill Site Project are adequate reasons to proceed with the project.
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General: disclaimer
It is possible that this Phase I HIA study may have missed heritage resources in the Project
Area as patches with Blue Gum trees and clumps of trees occur in particularly the most
northern part of the site which may hide heritage resources such as informal, undecorated
and abandoned graves whilst graves or heritage resources may lie below the surface of the
earth and may only be exposed once development commences.
It is also possible that heritage resources may simply have been missed as a result of
human failure to detect them.
If any heritage resources of significance is exposed during the construction, operation or
closure of the proposed expansion of the Chloorkop Landfill Site Project the South African
Heritage Resources Authority (SAHRA) should be notified immediately, all development
activities must be stopped and an archaeologist accredited with the Association for Southern
African Professional Archaeologist (ASAPA) should be notify in order to determine
appropriate mitigation measures for the discovered finds. This may include obtaining the
necessary authorisation (permits) from SAHRA to conduct the mitigation measures.
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CONTENTS
Terminology 2
Acronyms and abbreviations 3
Executive summary 7
1 INTRODUCTION 11
1.1 Background and context 11
1.2 Aims with the report 11
1.3 Assumptions and limitations 12
2 DETAILS OF THE SPECIALIST 13
3 DECLARATION OF INDEPENDENCE 14
4 LEGAL FRAMEWORK 15
4.1 Legislation relevant to heritage resources 15
4.1.1 NEMA 15
4.1.2 MPRDA 17
4.1.3 NHRA 17
4.1.3.1 Heritage Impact Assessment studies 17
4.1.3.2 Section 34 (Buildings and structures) 18
4.1.3.3 Section 35 (Archaeological and palaeontological
resources and meteorites) 19
4.1.3.4 Section 36 (Burial grounds and graves) 19
4.1.3.5 Section 37 (Public monuments and memorials) 21
4.1.3.6 Section 38 (HRM) 21
4.4.4 NEMA Appendix 6 requirements 22
5 THE CHLOORKOP LANDFILL EXPANSION PROJECT 24
5.1 Location 24
5.2 The nature of the CLF Project Area 24
5.3 The nature of the proposed expansion of the CLF Site Project 27
6 CONTEXTUALISING THE STUDY AREA 29
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7 APPROACH AND METHODOLOGY 33
7.1 Field survey 33
7.2 Databases, literature survey and maps 34
7.3 Consultation process undertaken and comments
received from stakeholders 34
7.4 Significance rating 34
8 THE PHASE I HERITAGE SURVEY AND ASSESSMENT 37
8.1 The field survey 37
8.2 Summary 41
9 MITIGATING POSSIBLE HERITAGE RESOURCES 42
9.1 Chance-find procedures 42
9.1.1 Chance-find procedures for heritage resources 42
9.1.2 Chance-Find Procedures for burials and graves 43
10 CONCLUSION AND RECOMMENDATIONS 45
11 SELECT BIBLIOGRAPHY 46
12 BIBLIOGRAPHY RELATING TO EARLIER HERITAGE
STUDIES 48
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1 INTRODUCTION
1.1 Background and context
EnviroServ Waste Management (Pty) Ltd own and operate several landfill sites for
the disposal of waste. In Midrand, their Chloorkop Landfill Site accepts municipal
solid waste from the City of Johannesburg and the Ekurhuleni Metropolitan
Municipality. The Chloorkop Landfill Site is nearing airspace capacity and will not be
able to receive waste once full. Alternative airspace in the Midrand region is limited.
Given the current and future waste generation potential of the Midrand region, there
is an ongoing need for waste disposal services, even with growing success of the
levels of waste diversion.
EnviroServ is proposing to expand the Chloorkop Landfill Site onto adjacent
properties. The targeted properties, north of the site, are Erf 334 and 335 of
Chloorkop Extension 6, which are approximately 14 ha in extent. EnviroServ is in
engagements with the property owner.
1.2 Aims with the report
This study comprises an archaeological and heritage survey and impact assessment
study according to Section 38 of the National Heritage Resources Act (No 25 of 1999)
for EnviroServ’s proposed expansion of its existing Chloorkop Landfill Site in Midrand in
the Gauteng Province. The aims with the heritage survey and impact assessment for
the project were the following:
• To establish whether any of the types and ranges of heritage resources as
outlined in Section 38 of the National Heritage Resources Act (No 25 of 1999)
do occur in the Project Area.
• To establish the significance of the heritage resources in the Project Area and
the level of significance of any possible impact on any of these heritage
resources.
• To propose mitigation measures for those types and ranges of heritage
resources that may be affected by the proposed expansion of the Chloorkop
Landfill Site.
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1.3 Assumptions and limitations
The findings, observations, conclusions and recommendations reached in this report
are based on the author’s best scientific and professional knowledge, available
information and his ability to keep up with the physical and other comprehensive
challenges that the project commanded. The author has a good understanding of the
types and ranges of heritage resources that occur in the wider region as he was
involved with several heritage impact assessment studies in the area during the last
fifteen years (see Part 11, ‘Bibliography relating to earlier heritage studies’).
The report’s findings are based on accepted archaeological survey and assessment
techniques and methodologies.
The GPS track log is not necessary a true reflection of all the tracks routes that the
surveyor followed as the track logs were registered with a mounted GPS instrument.
Pedestrian surveys conducted from the vehicle were not in all instances recorded.
The author preserves the right to modify aspects of the report including the
recommendations if and when new information becomes available particularly if this
information may have an influence on the report’s final results and
recommendations.
The heritage survey may have missed heritage resources as heritage sites may be
covered with grass or vegetation whilst others may be located below the surface of
the earth and may only be exposed once development commences.
It is also possible that heritage resources may simply have been missed as a result
of human failure to detect them.
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2 DETAILS OF THE SPECIALIST
Profession: Archaeologist, Museologist (Museum Scientists), Lecturer, Heritage Guide
Trainer and Heritage Consultant
Qualifications:
BA (Archaeology, Anthropology and Psychology) (UP, 1976)
BA (Hons) Archaeology (distinction) (UP, 1979)
MA Archaeology (distinction) (UP, 1985)
D Phil Archaeology (UP, 1989)
Post Graduate Diploma in Museology (Museum Sciences) (UP, 1981)
Work experience:
Museum curator and archaeologist for the Rustenburg and Phalaborwa Town Councils
(1980-1984)
Head of the Department of Archaeology, National Cultural History Museum in Pretoria
(1988-1989)
Lecturer and Senior lecturer Department of Anthropology and Archaeology, University of
Pretoria (1990-2003)
Independent Archaeologist and Heritage Consultant (2003-)
Accreditation: Member of the Association for Southern African Professional Archaeologists.
(ASAPA)
Summary: Julius Pistorius is a qualified archaeologist and heritage specialist with extensive
experience as a university lecturer, museum scientist, researcher and heritage consultant.
His research focussed on the Late Iron Age Tswana and Lowveld-Sotho (particularly the
Bamalatji of Phalaborwa). He has published a book on early Tswana settlement in the North-
West Province and has completed an unpublished manuscript on the rise of Bamalatji metal
workings spheres in Phalaborwa during the last 1 200 years. He has excavated more than
twenty LIA settlements in North-West and twelve IA settlements in the Lowveld and has
mapped hundreds of stone walled sites in the North-West. He has written a guide for
Eskom’s field personnel on heritage management. He has published twenty scientific papers
in academic journals and several popular articles on archaeology and heritage matters. He
collaborated with environmental companies in compiling State of the Environmental Reports
for Ekhurhuleni, Hartebeespoort and heritage management plans for the Magaliesberg and
Waterberg. Since acting as an independent consultant he has done approximately 800 large
to small heritage impact assessment reports. He has a longstanding working relationship
with Eskom, Rio Tinto (PMC), Rio Tinto (EXP), Impala Platinum, Angloplats (Rustenburg),
Lonmin, Sasol, PMC, Foskor, Kudu and Kelgran Granite, Bafokeng Royal Resources,
Pilanesberg Platinum Mine (PPM) etc. as well as with several environmental companies.
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3 DECLARATION OF INDEPENDENCE
I, Dr Julius CC Pistorius declare the following:
• I act as an independent specialist in this application;
• I will perform the work relating to the application in an objective manner, even,
if this result in views and findings that are not favourable for the applicant;
• I declare that there are no circumstances that may compromise my
objectivity in performing such work;
• I have expertise in conducting the specialists report relevant to this
application, including knowledge of the Act, Regulations and any guidelines
that have relevance to the applications;
• I will comply with the Act, Regulations and other applicable legislation;
• I will consider, to the extent possible, the matters listed in Regulation 13;
• I understand to disclose to the applicant and the competent authority all
material information in my possession
• All the particulars furnished by me in this form are true and correct that
reasonably has or may have the potential of influencing - any decision to be
taken with respect to the application by the competent authority; and - the
objectivity of any report, plan or document to be prepared by myself for
submission to the competent authority; and
• I realise that a false declaration is offence in terms of regulation 48 and is
punishable in terms of section 24F of the Act.
1 April 2019
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4 LEGAL FRAMEWORK
South Africa’s heritage resources (’national estate’) are protected by international,
national, provincial and local legislation which provides regulations, policies and
guidelines for the protection, management, promotion and utilization of heritage
resources. South Africa’s ‘national estate’ includes a wide range of various types of
heritage resources as outlined in Section 3 of the National Heritage Resources Act
(NHRA, Act No 25 of 1999) (see Box 1).
At a national level heritage resources are dealt with by the National Heritage Council
Act (Act No 11 of 1999) and the National Heritage Resources Act (NHRA, Act No 25
of 1999). According to the NHRA (Act No 25 of 1999) heritage resources are
categorized using a three-tier system, namely Grade I (national), Grade II (provincial)
and Grade III (local) heritage resources.
At the provincial level, heritage legislation is implemented by Provincial Heritage
Resources Agencies (PHRA’s) which apply the National Heritage Resources Act
(Act 25 of 1999) together with provincial government guidelines and strategic
frameworks. Metropolitan or Municipal (local) policy regarding the protection of
cultural heritage resources is also linked to national and provincial acts and is
implemented by the South African Heritage Resources Agency (SAHRA) and the
Provincial Heritage Resources Agencies (PHRA’s).
4.1 Legislation relevant to heritage resources
Legislation relevant to South Africa’s national estate includes the following:
• National Environmental Management Act (NEMA) Act 107 of 1998
• Minerals and Petroleum Resources Development Act (MPRDA) Act 28 of
2002
• National Heritage Resources Act (NHRA) Act 25 of 1999
• Development Facilitation Act (DFA) Act 67 of 1995
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Box 1: Types and ranges of heritage resources (the national estate) as outlined
in Section 3 of the National Heritage Resources Act, 1999 (No 25 of 1999).
The National Heritage Resources Act (Act No 25 of 1999, Art 3) outlines the following types and ranges of
heritage resources that qualify as part of the National Estate, namely:
(a) places, buildings structures and equipment of cultural significance;
(b) places to which oral traditions are attached or which are associated with living heritage;
(c ) historical settlements and townscapes;
(d) landscapes and natural features of cultural significance;
(e) geological sites of scientific or cultural importance;
(f) archaeological and palaeontological sites;
(g) graves and burial grounds including-
(i) ancestral graves;
(ii) royal graves and graves of traditional leaders;
(iii) graves of victims of conflict;(iv) graves of individuals designated by the Minister by notice in the
Gazette;
(v) historical graves and cemeteries; and
(vi) other human remains which are not covered by in terms of the Human Tissues Act, 1983 (Act No
65 of 1983);
(h) sites of significance relating to the history of slavery in South Africa;
(i) movable objects, including -
(i) objects recovered from the soil or waters of South Africa, including archaeological and palaeontological objects and material, meteorites and rare geological specimens;
(ii) objects to which oral traditions are attached or which are associated with living heritage;
(iii) ethnographic art and objects;
(iv) military objects;
(v) objects of decorative or fine art;
(vi) objects of scientific or technological interest; and
(vii) books, records, documents, photographs, positives and negatives, graphic, film or video material
or sound recordings, excluding those that are public records as defined in section 1(xiv) of the
National Archives of South Africa Act, 1996 (Act No 43 of 1996).
The National Heritage Resources Act (Act No 25 of 1999, Art 3) also distinguishes nine criteria for places
and objects to qualify as ‘part of the national estate if they have cultural significance or other special value
…‘. These criteria are the following:
(a) its importance in the community, or pattern of South Africa’s history;
(a) its possession of uncommon, rare or endangered aspects of South Africa’s natural or cultural
heritage;
(b) its potential to yield information that will contribute to an understanding of South Africa’s natural or
cultural heritage;
(c) its importance in demonstrating the principal characteristics of a particular class of South Africa’s
natural or cultural places or objects;
(e) its importance in exhibiting particular aesthetic characteristics valued by a community or cultural
group;
(f) its importance in demonstrating a high degree of creative or technical achievement at a particular
period;
(g) its strong or special association with a particular community or cultural group for social, cultural or
spiritual reasons; (h)
(h) its strong or special association with the life or work of a person, group or organisation of
importance in the history of South Africa;
(i) sites of significance relating to the history of slavery in South Africa
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4.1.1 NEMA
The NEMA stipulates under Section 2(4)(a) that sustainable development requires
the consideration of all relevant factors including (iii) the disturbance of landscapes
and sites that constitute the nation’s cultural heritage must be avoided, or where it
cannot be altogether avoided, is minimised and remedied. Heritage assessments are
implemented in terms of the NEMA Section 24 in order to give effect to the general
objectives. Procedures considering heritage resource management in terms of the
NEMA are summarised under Section 24(4) as amended in 2008. In addition to the
NEMA, the National Environmental Management: Protected Areas Act, 2003 (Act
No. 57 of 2003) (NEMPA) may also be applicable. This act applies to protected
areas and world heritage sites, declared as such in terms of the World Heritage
Convention Act, 1999 (Act No. 49 of 1999) (WHCA).
4.1.2 MPRDA
The MPRDA stipulates under Section 5(4) no person may prospect for or remove,
mine, conduct technical co-operation operations, reconnaissance operations, explore
for and produce any mineral or petroleum or commence with any work incidental
thereto on any area without (a) an approved environmental management programme
or approved environmental management plan, as the case may be.
4.1.3 NHRA
According to Section 3 of the NHRA (Act No 25 of 1999) the ‘national estate’
comprises a wide range and various types of heritage resources (see Box 1).
4.1.3.1 Heritage Impact Assessment studies
According to Section 38 of the National Heritage Resources Act (Act No 25 of 1999)
a Heritage Impact Assessment (HIA) process must be followed under the following
circumstances:
• The construction of a linear development (road, wall, power line, canal etc.)
exceeding 300m in length
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• The construction of a bridge or similar structure exceeding 50m in length
• Any development or activity that will change the character of a site and which
exceeds 5 000m2 or which involve three or more existing erven or
subdivisions thereof
• Re-zoning of a site exceeding 10 000 m2
• Any other category provided for in the regulations of SAHRA, a provincial or
local heritage authority or any other legislation such as NEMA, MPRDA, etc.
4.1.3.2 Section 34 (Buildings and structures)
Section 34 of the NHRA provides for general protection of structures older than 60
years. According to Section 34(1) no person may alter (demolish) any structure or
part thereof which is older than 60 years without a permit issued by the relevant
provincial heritage resources authority.
A structure means any building, works, device or any other facility made by people
and which is fixed to land and which includes fixtures, fittings and equipment
associated with such structures.
Alter means any action which affects the structure, appearance or physical
properties of a place or object, whether by way of structural or any other works such
as painting, plastering, decorating, etc..
Most importantly, Section 34(1) clearly states that no structure or part thereof may be
altered or demolished without a permit issued by the relevant Provincial Heritage
Resources Authority (PHRA). These permits will not be granted without a HIA being
completed. A destruction permit will thus be required before any removal and/or
demolition may take place, unless exempted by the PHRA according to Section
34(2) of the NHRA.
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4.1.3.3 Section 35 (Archaeological and palaeontological resources and
meteorites)
Section 35 of the NHRA provides for the general protection of archaeological and
palaeontological resources, and meteorites. In the event that archaeological
resources are discovered during the course of development, Section 38(3)
specifically requires that the discovery must immediately be reported to the PHRA, or
local authority or museum who must notify the PHRA. Furthermore, no person may
without permits issued by the responsible heritage resources authority may:
• destroy, damage, excavate, alter, deface or otherwise disturb any
archaeological or paleontological site or any meteorite
• destroy, damage, excavate, remove from its original position, collect or own
any archaeological or paleontological material or object or any meteorite
• trade in, sell for private gain, export or attempt to export from the Republic any
category of archaeological or paleontological material or object, or any
meteorite; or bring onto or use at an archaeological or paleontological site any
excavation equipment or any equipment that assists in the detection or
recovery of metals or archaeological and paleontological material or objects,
or use such equipment for the recovery of meteorites
• alter or demolish any structure or part of a structure which is older than 60
years.
Heritage resources may only be disturbed or moved by an archaeologist after being
issued with a permit received from the South African Heritage Resources Agency
(SAHRA). In order to demolish heritage resources the developer has to acquire a
destruction permit by from SAHRA.
4.1.3.4 Section 36 (Burial grounds and graves)
Section 36 of the NHRA allows for the general protection of burial grounds and
graves. Should burial grounds or graves be found during the course of development,
Section 36(6) stipulates that such activities must immediately cease and the
discovery reported to the responsible heritage resources authority and the South
20
African Police Service (SAPS). Section 36 also stipulates that no person without a
permit issued by the relevant heritage resources authority may:
a) destroy, damage, alter, exhume or remove from its original position or
otherwise disturb the grave of a victim of conflict, or any burial ground or part
thereof which contains such graves
b) destroy, damage, alter, exhume or remove from its original position or
otherwise disturb any grave or burial ground older than 60 years which is
situated outside a formal cemetery administered by a local authority; or
c) bring onto or use at a burial ground or grave referred to in paragraph (a) or (b)
any excavation, or any equipment which assists in the detection or recovery of
metals.
Section 36 of the NHRA divides graves and burial grounds into the following
categories:
a. ancestral graves
b. royal graves and graves of traditional leaders
c. graves of victims of conflict
d. graves designated by the Minister
e. historical graves and cemeteries
f. human remains
Human remains less than 60 years old are subject to provisions of the National
Health Act, 2003 (Act No 61 of 2003), Ordinance 12 of 1980 (Exhumation
Ordinance) and Ordinance No 7 of 1925 (Graves and dead bodies Ordinance,
repealed by Mpumalanga). Municipal bylaws with regard to graves and graveyards
may differ. Professionals involved with the exhumation and relocation of graves and
graveyards must establish whether such bylaws exist and must adhere to these
laws.
Unidentified graves are handled as if they are older than 60 years until proven
otherwise.
Permission for the exhumation and relocation of graves older than sixty years must
also be gained from descendants of the deceased (where known), the National
21
Department of Health, Provincial Department of Health, Premier of the Province and
local police. Furthermore, permission must also be gained from the various
landowners (i.e. where the graves are located and where they are to be relocated)
before exhumation can take place.
Human remains can only be handled by a registered undertaker or an institution
declared under the Human Tissues Act (Act 65 of 1983 as amended).
4.1.3.5 Section 37 (Public monuments and memorials)
Section 37 makes provision for the protection of all public monuments and
memorials in the same manner as places which are entered in a heritage register
referred to in Section 30 of the NHRA.
4.1.3.6 Section 38 (HRM)
Section 38 (8): The provisions of this section do not apply to a development as
described in Section 38 (1) if an evaluation of the impact of such development on
heritage resources is required in terms of the Environment Conservation Act, 1989
(Act No. 73 of 1989), or the integrated environmental management guidelines issued
by the Department of Environment Affairs and Tourism, or the Minerals Act, 1991
(Act No. 50 of 1991), or any other legislation. Section 38(8) ensures cooperative
governance between all responsible authorities through ensuring that the evaluation
fulfils the requirements of the relevant heritage resources authority in terms of
Subsection (3), and any comments and recommendations of the relevant heritage
resources authority with regard to such development have been taken into account
prior to the granting of the consent. Most of the Listed Activities in terms of the
Government Notice Regulations (GNRs) stipulated under NEMA for which
Environmental Authorisation (EA) will be applied for will also trigger a HIA as
contemplated in Section 38(1) above.
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4.4.4 NEMA Appendix 6 requirements
NEMA Regulations (2014) - Appendix 6 Relevant section in report
Details of the specialist who prepared the
report Dr Julius CC Pistorius
The expertise of that person to compile a
specialist report including a curriculum vitae Part 2. Details of the specialist
A declaration that the person is independent
in a form as may be specified by the
competent authority Part 3. Declaration of independence
An indication of the scope of, and the
purpose for which, the report was prepared Part 1. Introduction
The date and season of the site investigation
and the relevance of the season to the
outcome of the assessment
Part 7. Approach and Methodology
Part 8.1. Field survey
A description of the methodology adopted in
preparing the report or carrying out the
specialised process Part 7. Approach and Methodology
The specific identified sensitivity of the site
related to the activity and its associated
structures and infrastructure Part 8.1 The field survey
An identification of any areas to be avoided,
including buffers Part 8.2 Summary
A map superimposing the activity including
the associated structures and infrastructure
on the environmental sensitivities of the site
including areas to be avoided, including
buffers; Figure 3
A description of any assumptions made and
any uncertainties or gaps in knowledge; Part 1.3. Assumptions and limitations
A description of the findings and potential
implications of such findings on the impact of
Part 8.2 Summary
Part 9. Conclusion and
23
the proposed activity, including identified
alternatives, on the environment
recommendations
Any mitigation measures for inclusion in the
EMPr
Part 8.2. Summary
Part 9. Conclusion and
recommendations
Any conditions for inclusion in the
environmental authorisation
Part 9. Conclusion and
recommendations
Any monitoring requirements for inclusion in
the EMPr or environmental authorisation
Part 9. Conclusion and
recommendations
A reasoned opinion as to whether the
proposed activity or portions thereof should
be authorised and
Part 9. Conclusion and
recommendations
If the opinion is that the proposed activity or
portions thereof should be authorised, any
avoidance, management and mitigation
measures that should be included in the
EMPr, and where applicable, the closure plan
Part 9. Conclusion and
recommendations
A description of any consultation process that
was undertaken during the course of carrying
out the study
Part 7.4 Consultation process
undertaken and comments received
from stakeholders
A summary and copies if any comments that
were received during any consultation
process
Part 7.4 Consultation process
undertaken and comments received
from stakeholders
Any other information requested by the
competent authority. None
24
5 THE CHLOORKOP LANDFILL EXPANSION PROJECT
5.1 Location
EnviroServ’s existing Chloorkop Landfill Site is located on Portion 63 of Klipfontein
12-IR, Chloorkop in the Johannesburg Metropolitan Municipality in Midrand in the
Gauteng Province. The proposed expansion of the Chloorkop Landfill Site will occur
on two targeted properties, north of the existing site, namely Erf 334 and 335 of
Chloorkop Extension 6. The existing Chloorkop Landfill Site is bordered on the west
by the suburb of Klipfontein, the Chloorkop industrial area comprising a wide array of
industries and factories to the south and extensive mining surface activities to the
east (Figures 1 and 2).
5.2 The nature of the CLS Project Area
The Project Area is largely covered with the existing Chloorkop Landfill Site which is
nearing its airspace capacity. Along its northern perimeter several dams have been
established. The expansion of the Chloorkop Landfill Site will take place on Erf 334
directly bordering the CLS along its northern perimeter and still further north across
Anker Street on Erf 335. Both these erven have been intensely disturbed in the past as
a result of various activities which have occurred on the properties and which are still
taking place.
A limited number of structures with no heritage significance occur on Erf 334 in the
northern part of the Project Area. No structures were noted on Erf 335.
The Project Area has been altered to such an extent by development activities in the
past that very little of its original character has remained intact. It can therefore be
classified as a brown field’s area.
Figure 1- Regional location for EnviroServ’s existing Chloorkop Landfill Site (demarcated in red) in Midrand in the Gauteng
Province (above).
Figure 2- Local setting for the proposed expansion of the existing Chloorkop
Landfill Site in Midrand in the Gauteng Province (above).
27
5.3 The nature of the proposed expansion of the CLF Site Project
EnviroServ own the Chloorkop Landfill Site (CLS) and operate it in terms of a waste
management license (Ref: 16/2/7/A230/D17/Z1). Municipal solid waste is received
from the Midrand area, including the City of Johannesburg and the Ekurhuleni
Metropolitan Municipality. The CLS is located in the Chloorkop Industrial area on
Portion 63 of Klipfontein 12-IR and is accessed from Marsala Road.
The CLS has been developed over the past two decades with six engineered waste
disposal cells that form the waste body. The waste body covers an area of
approximately 23.2 ha. In 2016 GDARD granted approval for the permitted height of
the waste body to be a maximum of 25 m above ground level.
The waste body at the CLS has finite airspace, defined by the permitted footprint,
height and design parameters. The CLS will not be able to receive waste once it
reaches airspace capacity.
Given the current and future waste generation potential of the Midrand region, there
is an ongoing need for waste disposal services, even with growing levels of waste
diversion. Alternative airspace in the Midrand region is limited. EnviroServ is
proposing to expand the CLS in order to provide additional airspace for ongoing
disposal of municipal solid waste.
The proposal is to expand the Chloorkop Landfill Site onto adjacent properties. The
targeted properties, north of the site, are Erf 334 (Northern Extension Area 1A) and
335 (Northern Extension Area 1 B) of Chloorkop Extension 6, which are
approximately 14 ha in extent. EnviroServ is in engagements with the property
owner.
The concept is to establish engineered, Class B waste disposal cells on the target
properties for ongoing disposal of municipal solid waste. The additional waste
disposal cells would join with the current CLS waste body. The facility will include a
small Material Recovery Facility for the separation of clean recyclables from the
28
waste. Supporting infrastructure would be integrated with the CLS and/or
redeveloped as appropriate.
Anker Street separates part of the extension area from the CLS and thus a phased
approach is likely. The first phase would entail the development and use of waste
disposal cells between the CLS and Anker Street. The second phase would involve
the development and use of waste disposal cells on the northerly portion of the site,
connecting with the CLS and the first phase. The second phase would only proceed
if Anker Street had been relocated or closed (subject to municipal engagement and
approvals). The process to develop detailed designs for the waste disposal cells has
been initiated.
Support Services
The primary support services and infrastructure associated with the proposed
expansion of the CLS include the site entrance and access controls, weigh bridge,
leachate and storm water management and landfill gas management. The process to
develop detailed designs for the supporting infrastructure has been initiated.
Access to the facility would be via Marsala Road, off the M38. Potable water and
electricity would be sourced from the Ekurhuleni Metropolitan Municipality via
existing connections. Effluent from the site will be disposed to the municipal sewage
system.
29
6 CONTEXTUALISING THE PROJECT AREA
Very little is known about the earliest human occupation of the Midrand area, except
for the odd reporting of a stone tool or two which are found here and there near
limited rocky outcrops in this area along the northern tip of the southern Highveld.
However, no substantial number of Stone Age sites from any period of the Stone
Age is known to exist in this area, primarily as a result of a lack of research, general
ignorance amongst the layman in recognising stone tools but probably due to the
fact that the area that the area was not suitable for human habitation during the Iron
Age and probably part of the Stone Age as well.
However, it is possible that the first humans in Midrand may have been preceded by
Homo Erectus who roamed the area during the Aucheulian period of the Early Stone
Age, 500 000 years ago. Homo Erectus spread widely across Africa and the world
departing from its original preference of forested habitational zones The forbearer of
Homo Erectus, Australopithecus, considered to be the earliest ancestor of humans,
lived in the Blaaubank Valley around Krugersdorp in Gauteng (today the Cradle of
Humankind – a World Heritage Site) several million years ago (Deacon and Deacon
1999).
During the Middle Stone Age, 200 000 years ago, modern man or homo sapiens had
emerged, manufacturing a wider range of tools with technologies more advanced
than those from earlier periods. This enabled skilled hunter- gatherer bands to adapt
to different environments. From this time onwards, rock shelters and caves were
used for occupation and reoccupation over very long periods of time. Although no
caves occur in the Midrand area it is most likely that MSA tools may still be found
across this piece of the northern Highveld (Deacon and Deacon 1999).
The Late Stone Age, considered to have started some 20 000 years ago, is
associated with the predecessors of the San and Khoi Khoi. San hunter gatherer
bands with their small (microlithic) stone tools may have lived in the Midrand area as
a magnificent engraving site near Duncanville attest to their presence in Vereeniging,
south but close to Midrand. Stone Age hunter-gatherers lived well into the 19th
30
century elsewhere in South Africa but were probably not present in substantial
numbers when the first Colonists crossed the Vaal River during the early part of the
19th century (Deacon and Deacon 1999).
A considerable number of Late Iron Age stone walled sites dating from the 18th
century and from the 19th century, some may have been occupied as early as the
16th century, occur along and on top of the rocky ridges of the Klipriviersberg and
further east towards Alberton and Heidelberg. These settlements and features in
these sites, such as huts, were built with dry stone, reed and clay available from the
mountain and the Kliprivier (Mason 1962, 1986).
These stone walled settlements are both dispersed and concentrated in clusters of
sites. A site consists of a circular or elliptical outer wall that is composed of a number
of scalloped walls facing inwards towards one or more enclosures. Whilst the outer
scalloped walls served as dwelling quarters for various family groups, cattle, sheep
and goat were stock in the centrally located enclosures. Huts with clay walls and
floors were built inside the dwelling units. Pottery and metal items are common on
the sites. However, iron and copper were not produced locally on these sites (Mason
1962, 1986).
Sotho-Tswana speaking people who herded domestic stock such as cattle, sheep
and goat most probably occupied these stone walled settlements. Their pastoral way
of life was supplemented with the hunting, gathering and snaring of large and small
game from the veldt. None of these LIA sites occur in the Midrand area. The closet
site that was investigated used to exist at Lone Hill to the north-west of the Project
Area (Mason 1962, 1986).
If any human occupation did occur in the Midrand area during the difiqane and pre-
difaqane wars (AD1820’s to the 1840’s) when Mzilikazi and the Ndebele arrived from
the Vaal River before moving north across the Magaliesberg these communities
were probably uprooted as most of the refugees during this time period fled
elsewhere such as Botswana or the Free State Province. Archaeological evidence
31
from the Klipriviersberg settlements indicates that these sites might have been
abandoned, suddenly, and that the Late Iron Age people may have left the area as
they were attacked (Rasmussen 1978).
Some of the oldest colonial towns (except large cities such as Johannesburg and
Pretoria) close to Midrand include Edenvale, Kempton Park, Modderfontein, Tembisa
West, Phomolong, Rabie Ridge and Lethabong.
Edenvale owes its existence to the fact that Cornish miners settled there, and to
Tobias Mynhardt, who decided to subdivide his farm Rietfontein. He sold one portion
to the old Rietfontein Gold Mining Company, another to private persons and retained
the third portion. The first stands were sold in 1903 and the town was probably
named after John Eden, who owned part of Rietfontein in 1900. The first health
committee was established in 1935 and municipal status was attained in 1942.
Edenvale is mainly a residential town (Leroux 1992; O Hagan [ed.]).
Edenvale was strengthened through the amalgamation with Modderfontein, Tembisa
West, Phomolong and Rabie Ridge in 1995. Tembisa West proved to be a
homecoming exercise to many people whose families had been removed from
Edenvale due to apartheid policies prior to 1994. The area was established in 1948
and today provides a home for in excess of 80 000 people. The name of the region
was later changed to Lethabong, meaning Place of Happiness (Erasmus 1995).
The first title deed in the Kempton Park area was issued in 1859 for the farm
Zuurfontein. A major contributing factor to the establishment of Kempton Park was
the railway line between Pretoria and Vereeniging, built for the NZASM between
1890 and 1893. Zuurfontein station later became Kempton Park station. Industry
also played a large role in the expansion of Kempton Park and indirectly in the
establishment of Tembisa as a regional township for Africans in 1956. The first major
industry in the area was the explosives factory at Modderfontein. A special railway
link, necessary to transport all building materials to this site, was constructed in
1895, resulting in the isolation of a large triangular piece of land. Carl Wolff
purchased this land and established a township in 1903, named Kempten, after the
town in Bavaria from which he came. A health committee was established in 1935
32
and in 1942 Kempton Park became a municipality. Apart from being a residential
area, road, rail and air communications have made Kempton Park an important
industrial area (Erasmus 1995).
33
7 APPROACH AND METHODOLOGY
This heritage survey and impact assessment study was conducted by means of the
following:
7.1 Field survey
A field survey was conducted on 19 March 2019. Archaeological visibility was good
as the largest part of the Project Area was scarred in the past. Only a few clumps
with Blue Gum trees and clusters of trees occurred in the most northern part of the
Project Area. The largest surface area of the proposed Chloorkop Landfill Site is
already covered with a rubbish dump whilst various kinds of activities were
conducted on the property in the past so that it cannot be described as a pristine
piece of land any longer.
Figure 3- GPS track log which was registered with a mounted GPS instrument
(yellow outline). Pedestrian surveys were conducted from the main pathway.
Not all tracks were recorded (above).
All coordinates for heritage resources recorded were done with a Garmin Etrex hand
set Global Positioning System (instrument) with an accuracy of < 15m.
34
Google imagery was used as a supplementary source (prior to and after fieldwork) to
establish the possible presence of heritage resources such as current, abandoned or
demolished buildings in the Project Area.
The nature and character of the Project Area is further illuminated with descriptions
and photographs in Part 8.1 ‘The field survey’.
7.2 Databases, literature survey and maps
Databases kept and maintained at institutions such as the PHRA, the Archaeological
Data Recording Centre at the National Flagship Institute (Museum Africa) in Pretoria
and SAHRA’s national archive (SAHRIS) were consulted by the author to determine
whether any heritage resources of significance had been identified during earlier
heritage surveys in or near the Project Area.
Nevertheless heritage resources may have been missed as a result of various factors
(Part 1.3, ‘Assumptions and limitations).
7.3 Consultation process undertaken and comments received from
stakeholders
No specific consultation process was undertaken for the purposes of the heritage
study as the stakeholder consultation for the project is being done by SLR
Consulting (South Africa) (Pty) Ltd. However, Mrs. Charmain Mitchell as well as Mr.
Goodwill Sebidi of EnviroServ was consulted with regard to the possible presence of
heritage resources such as graves on site. Mr. Sebidi also accompanied the author
during the survey of the Project Area.
7.4 Significance ratings
The significance of possible impacts on the heritage resources was determined
using a ranking scale based on the following:
35
• Occurrence
- Probability of occurrence (how likely is it that the impact may/will occur?), and
- Duration of occurrence (how long may/will it last?)
• Severity
- Magnitude (severity) of impact (will the impact be of high, moderate or low
severity?), and
- Scale/extent of impact (will the impact affect the national, regional or local
environment, or only that of the site?).
Each of these factors has been assessed for each potential impact using the
following ranking scales:
Probability:
5 – Definite/don’t know
4 – Highly probable
3 – Medium probability
2 – Low probability
1 – Improbable
0 – None
Duration:
5 – Permanent
4 – Long-term (ceases with the
operational life)
3 - Medium-term (5-15 years)
2 - Short-term (0-5 years)
1 – Immediate
Scale:
5 – International
4 – National
3 – Regional
2 – Local
1 – Site only
0 – None
Magnitude:
10 - Very high/don’t know
8 – High
6 – Moderate
4 – Low
2 – Minor
The heritage significance of each potential impact was assessed using the following
formula:
Significance Points (SP) = (Magnitude + Duration + Scale) x Probability
36
The maximum value is 100 Significance Points (SP). Potential environmental
impacts are rated as very high, high, moderate, low or very low significance on the
following basis:
• More than 80 significance points indicates VERY HIGH heritage significance.
• Between 60 and 80 significance points indicates HIGH heritage significance.
• Between 40 and 60 significance points indicates MODERATE heritage
significance.
• Between 20 and 40 significance points indicates LOW heritage significance.
• Less than 20 significance points indicates VERY LOW heritage significance.
37
8 THE PHASE I HERITAGE SURVEY AND ASSESSMENT
8.1 The field survey
The Project Area largely comprises the existing Chloorkop Landfill Site and the
severely disturbed Erven 334 and 335 which are located to the north of the existing
landfill site. Patches with dense vegetation still occur on Erf 335 and may hide
heritage resources such as isolated, abandoned graves although this seems most
unlikely considering the intensity and range of activities which have occurred over
the property in the past as well as in the present.
Limited infrastructure with no heritage significance occurs in Erf 334 directly to the
south of Anker Street in the northern part of the Project Area. No infrastructure was
noted on Erf 335.
Figure 4–The largest part of the Project Area is covered with the current
Chloorkop Landfill Site which has obliterated the natural environment and
which significantly has altered the state of the environment (above).
38
Figure 5– Cell 7 Area within the CLS holds several dams and a methane
producing plant. This area is separated from Northern Extension Area 1A by
means of a fence and patches with Blue Gum trees (above).
Figure 6 – The south-western corner of the CLS where the relocated methane
plant will be established have been disturbed in the past (above).
39
Figure 7– Northern Extension Area 1 A is used for various activities such as
crushing, recycling of waste materials, dumping, etc. The workshops and
other infrastructure in this area hold no heritage significance (above).
Figure 8– The southern edge of Northern Extension Area 1 A is covered with
bush. Patches with Blue Gum trees and heaps of dumped waste material
(above).
40
Figure 9- The northern part of Northern Extension Area 1 A where the PCD and
MRF will be established has been scarred by road construction and the
removal of soil and have left the area in a negative environmental state
(above).
Figure 10- The southern part of the Northern Extension Area 1 is covered with
soil dumped on site totally altering the site’s original appearance (above).
41
8.2 Summary
The Phase I HIA study for the proposed expansion of the Chloorkop Landfill Site
Project did not reveal the presence of any of the types and ranges of heritage
resources as outlined in Section 3 of the National Heritage Resources Act (No 25 of
1999) in the Project Area.
As a result it is considered unlikely that the development or operation of the
expanded Chloorkop Landfill Site would have any impact on a heritage resource.
There is consequently no reason from a heritage point of view why the proposed
expansion of the Chloorkop Landfill Site Project cannot proceed if the recommended
chance find procures are implemented should any chance finds of heritage
resources occur. This applies to implementing only Phase 1a (Erf 335) or Phase 1b
(Erf 334) or both phases comprising Erf 335 and Erf 334.
42
9 MITIGATING POSSIBLE HERITAGE RESOURCES
No heritage resources have been observed in the Project Area and it considered
highly unlikely that heritage resources would have an influence or bearing on the
proposed development. Consequently, no mitigation measures are necessary.
However, patches with Blue Gum trees and clumps of trees occur in particularly the
most northern part of the site which may hide heritage resources such as informal,
undecorated and abandoned graves.
If chance finds of heritage resources, including graves that have been missed during
the Phase I survey, are made during the construction, operation or eventual closure
of the expansion of the Chloorkop Landfill Site, the following chance find procedures
must be implemented.
9.1 Chance find procedures Chance Find Procedures are applicable during the construction, operation or closure
phases of the expansion of Chloorkop Landfill Site Project and apply to all
contractors, subcontractors, subsidiaries or service providers. If any of the
institutions employees find any heritage resources during any developmental activity
the person and institution must cease work at the site of the find. They must report
this find to their immediate supervisor and through their supervisor to the senior on-
site manager.
9.2.1 Chance find procedures for heritage resources
The initial procedure to follow when heritage resources are uncovered during
development is aimed at avoiding any further possible damage to the heritage
resources. The following procedures must be followed:
• The person or group who identified or exposed the heritage resource or burial
ground must cease all activity in the immediate vicinity of the site.
• The chance find must be reported to the on-site manager.
43
• The on-site manager must make an initial assessment of the extent of the find
and confirm that further work has stopped. He must ensure that the site is
secured and that controlled access is implemented.
• The on-site manager must inform the Environmental Officer (EO) and Health
and Safety Officer (HS) of the chance find and its immediate impact on the
Chloorkop Landfill Site Project. The EO must contact an archaeologist
registered with the Association for Southern African Professional
Archaeologist (ASAPA) or the South African Heritage Resources Agency
(SAHRA) who would provide the details of an archaeologist.
• The archaeologist will conduct a site inspection and confirm the significance
of the discovery, recommend appropriate mitigation measures to the
Chloorkop Landfill Site Project and notify the relevant authorities.
• Based on the comments received from the authorities the archaeologist will
provide the Chloorkop Landfill Site Project with a Terms of References Report
(TOR) and associated costs if mitigation measures have to be implemented.
The archaeologist will also obtain the necessary permits from SAHRA to
conduct the necessary mitigation measures
9.3.2 Chance Find Procedures for burials and graves
In the event that unidentified burial grounds or graves are identified and/or exposed
during any of the developmental phases of the expansion of Chloorkop Landfill Site
Project the following steps must be implemented subsequent to those outlined
above:
• The archaeologist must confirm the presence of graveyards and graves and
implement the following procedures.
• Inform the local South African Police (SAP) and traditional authority.
• The archaeologist in conjunction with the SAP and traditional authority will
inspect the possible graves and make an informed decision whether the
remains are of forensic, recent, cultural-historical or archaeological
significance.
44
• Should it be concluded that the find is of heritage significance and therefore
protected in terms of heritage legislation the archaeologist will notify the
relevant authorities.
• The archaeologist will provide advice with regard to mitigation measures for
the graves.
45
10 CONCLUSION AND RECOMMENDATION
The Phase I HIA study for the proposed expansion of the Chloorkop Landfill Site
Project did not reveal the presence of any of the types and ranges of heritage
resources as outlined in Section 3 of the National Heritage Resources Act (No 25 of
1999) in the Project Area.
As a result it is considered unlikely that the development or operation of the
expansion of the Chloorkop Landfill Site would have any impact on a heritage
resource. There is consequently no reason from a heritage point of view why the
proposed expansion of Chloorkop Landfill Site Project cannot proceed if the
recommended chance find procures are implemented should any chance finds of
heritage resources occur. This applies to implementing only Phase 1a (Erf 335) or
Phase 1b (Erf 334) or both phases comprising Erf 335 and Erf 334.
The location of the Chloorkop Landfill Site Project within an existing industrial hub
together with factors such as the general characteristics of the Project Area, the critical
need for economic development in the country and recommended mitigation and
management measures should heritage resources be exposed during the construction,
operation or closure of the expansion of Chloorkop Landfill Site Project are adequate
reasons to proceed with the project.
DR JULIUS CC PISTORIUS
Archaeologist & Heritage Consultant
Member ASAPA
46
11 SELECT BIBLIOGRAPHY
Bergh, J.S. 1992. Die vestiging van die Voortrekkers noord van die Vaalrivier tot 1840.
Historia, 37(2), 38-42.
Deacon, H.J. & Deacon, J. 1999. Human beginnings in South Africa. Uncovering the
secrets of the Stone Age. David Philips: Cape Town.
Erasmus, B.P.J. 1995. Oppad in Suid Afrika. ‘n Gids tot Suid Afrika, Streek vir Streek.
Jonathan Ball Uitgewers Bpk.
Leroux, V. 1992. Reader’s Digest Book of the Great South African Outdoors. Cape
Town: Reader’s Digest Association South Africa.
Maggs, T.M. ‘O C. 1976. Iron Age communities of the Southern Highveld.
Pietermaritzburg: Natal Museum
Mason, R.J. 1962. The prehistory of the Transvaal. Johannesburg: Witwatersrand
University Press.
Mason, R.J. 1986. Origins of black people of Johannesburg and the Southern Western
Central Transvaal AD 350-1880. Archaeological Research Unit. Occasional Paper No
16. University of the Witwatersrand.
Mayhew, V. (ed.). 1982. Reader’s Digest illustrated guide to Southern Africa. Cape
Town: Reader’s Digest Association South Africa.
O Hagan, T. (ed.) 1995. Places to visit in Southern Africa. Cape Town: AA The Motorist
Publications.
Rasmussen, R.K. 1978. Migrant kingdom: Mzilikazi's Ndebele in South Africa. Cape
Town: David Philip.
47
TNAD 1905. Short history of the native tribes of the Transvaal. Pretoria: Government
Printer.
Van Vollenhoven, A. 1997. ‘n Kultuurhulpbronstudie van die Britse Blokhuisstelsel
van die Tweede Anglo-Boere-oorlog in die voormalige Transvaal (Zuid-Afrikaansche
Republiek). Pretoria: Nasionale Kultuurhistoriese Museum.
Wadley, L. 1987. Later Stone Age Hunters and Gatherers of the Southern Transvaal:
Social and Ecological Interpretations. Oxford: British Archaeological Reports
International Series 380.
48
12 BIBLIOGRAPHY RELATING TO EARLIER HERITAGE STUDIES De Jongh, R. & Pistorius, J.C.C. 2003. State of the Environmental Report. Unpublished
report for the Ekurhuleni Metropolitan Municipality.
Pistorius, J.C.C. 2004. A Phase I Heritage Impact Assessment for the proposed new
airport park extension 4 township in Germiston in the Gauteng province. Unpublished
report for Boston Associates.
Pistorius, J.C.C. 2006.A Phase I Heritage Impact Assessment for the a proposed new
residential area development on the farm Modderfontein 76IR in Benoni in the Gauteng
Province. Unpublished report for K2M Technologies.